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Sponsored by DLA Piper AustraliaAdam Smith of DLA Piper Australia reports on the New South Wales Supreme Court’s ruling that three hydroelectric power stations constituted property outside the traditional categories used in determining the character of an interest.
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Sponsored by MDDPMagdalena Dymkowska of MDDP provides a guide to the vagaries of the Polish transfer pricing regulations and explains why the applicability of the arm’s-length rule may leave multinational companies somewhat surprised.
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Sponsored by DLA Piper NetherlandsJian-Cheng Ku, Jean-Paul Dresen, and Xander Stubenrouch of DLA Piper Netherlands discuss the imminent turnaround on arm’s-length interest deduction in the Netherlands following a landmark EU case.
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Sponsored by MachadoCecilia Yokoyama and Juliana Mari Tanaka of Machado Associados discuss the legal definition of praça that sets the taxable basis for excise tax in transactions carried out between interdependent companies.
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Sponsored by DeloitteBusinesses want their tax functions to be more strategic. Guy Seeger and Jan De Clercq of Deloitte explain how you can deliver on those expectations.
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Sponsored by Deloitte NorwayLene Bergersen of Deloitte Norway explains the EFTA Court judgment in PRA Group Europe AS v Staten v/Skatteetaten.
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Sponsored by EY RomaniaUkrainians who stay in Romania for more than six months could face additional tax liabilities. Corina Mîndoiu and Andra Ciotic of EY Romania explain the relevant legislation for those who fled the conflict.
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Sponsored by Rosli Dahlan Saravana PartnershipS Saravana Kumar and Yap Wen Hui of Rosli Dahlan Saravana Partnership explain the significance of a ruling that an agreement for a gas compressor installation is subject to nominal stamp duty.
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Sponsored by KPMG ChinaLewis Lu of KPMG China discusses the refined voluntary disclosure regime implementation rules for customs duty, valid from July 2022 to the end of 2023.